Category Archives: ISO 14001

Training Effectiveness Guide

An Apple a DayVerification of training effectiveness is required by most of the frequently used management system standards. Even companies with well-established training programs struggle with how to evaluate and moreover, how to realize value from their efforts.

Naturally, I see many methods of verification of training effectiveness in my audits – sometimes inspiring, sometimes – not so much. At the very least, it all makes me think. Without giving away anyone’s secrets, I thought I’d share my own thoughts.

The Requirement for Training Effectiveness

Verification of training effectiveness shows up in several of the popularly implemented standards; 9001:2008  (and in the DIS of the 2015 version), 13485:2003 (Medical devices), OHSAS 18001:2007 (Safety), and 27001:2013 (Information Systems).

You may note the omission of ISO 50001:2011 (Energy management) – verification of training effectiveness isn’t there, at least not directly.

And 14001:2004 (Environmental management), the current version, does not have a requirement to evaluate training effectiveness (old school), but the second draft (CD2) does have it. So, if you’re in that world – best start considering how you’re going to meet that need.

I’ll use the text from 9001 except where there’s a noteworthy difference in one of the other standards:

Competence, training and awareness
The organization shall

a) determine the necessary competence for personnel performing work affecting conformity to product requirements,

b) where applicable, provide training or take other actions to achieve the necessary competence,

c) evaluate the effectiveness of the actions taken,

d) ensure that its personnel are aware of the relevance and importance of their activities and how they contribute to the achievement of the quality objectives, and

e) maintain appropriate records of education, training, skills and experience…

OHSAS 18001 (Safety) is particularly succinct (note how it also addresses risk):

The organization shall identify training needs associated with its OH&S risks and its OH&S management system. It shall provide training or take other action to meet these needs, evaluate the effectiveness of the training or action taken, and retain associated records.

The main point for our discussion today is that people get trained, and the effectiveness of that training must be evaluated.

Something as simple as this:

Basic Requrement

Ideally, though, if the training wasn’t effective one might question the training method. Another natural response, not unwholly unwarranted, is to assume the person being trained is at fault; that he or she just didn’t “get it”. This is, in my experience, the typical reaction –  and usually without justification.

But it need not be so. This is a larger topic, and mostly beyond the detail level of this post, but books and careers are made on the study of learning. If you’re interested in a fairly detailed work on that topic there’s How Learning Works: Seven Research-Based Principles for Smart Teaching. It’s geared more toward a university environment but it gives a fairly thorough understanding of the challenge.

For those of us juggling the job you were hired for plus the task of training, a great book choice is Design For How People Learn (Voices That Matter) by Julie Dirksen. It is certainly a practical and useful guide to the fundamental concepts of instructional design.

Failing that, simply showing someone a powerpoint or loading a VHS tape doesn’t necessarily have any chance to provide an effective learning experience for some people – even if you do make them sign a piece of paper afterwards saying their eyes were mostly open most of the time.

A better flow diagram may look like this:

Slightly more advanced training flowchart

Or, how about this? We’ve added a “lessons learned” that will modify the materials or methods for next time.

More enlightened Essentially, what I’m saying is before you train – evaluate what types of training would be suitable for both the task and the individual. Then, execute the training and make the evaluation of effectiveness. With this information in hand, go back and tweak the materials while providing any feedback to the training methodology for next time – and provide any needed retraining.

This is simply an extension of the Plan, Do, Check Act (PDCA) methodology and is at the core of these standards.

Some Specific Methods to Evaluate Training Effectiveness

Let’s look at some common ways to evaluate training effectiveness.

Testing

Tried and true, and most corporations’ go-to method of determining training effectiveness. Written tests do lend themselves well to safety-related training, or clear requirements-based content such as ITAR or even general policies with “dos and don’ts”.

Just be sure that if testing is used that there is a minimum score needed. I’ve reviewed test results and have found individuals that have received fairly close to a zero and still “pass”.

What happens in this situation is that if there is a low hurdle to jump it soon leads to corrections needed or non-conformances found in the process or product.

Typically these initial non-conformances have found the root cause to be related to training and this type of method defect is weeded out early.

Having said that, Testing is a simple solution and is likely going to be in your bag of evaluation options, if done properly.

An On-going Review of Process Metrics

Essentially, the rationale is saying, “Hey, we have trained people, we measure the important metrics and our trends are good; within limits and we are improving where possible.

It definitely can work. Naturally, the challenge is twofold; defining the meaningful metrics and measuring them in a consistent manner. Goals should be established already in response to The Standards’ other requirements.

If this method is used, be sure to clearly define how it works and have data to back it up. Remember, one of the other requirements is to maintain records to show the verification of training effectiveness – so clearly define what the record is.

Inquiry

It could be as simple as asking the individual who was trained, “How do you think the training went?” – this could be coupled with a short “trip report” (or not). This does tend to have limitations in terms of when it can be used, however. It is well-suited to external trainings or trainings to executive or higher-end technical positions, though it likely can be adapted to any situation.

A Review of an External Certification

Specific to externally performed trainings where the attendee completes a course and is given a post-course test or other plausible evaluation. Again, records would be needed to show this.

At Employee Reviews

A bit tricky in practice since these reviews often take place once a year but it is quite a common solution. Works particularly well for procedure or work-instruction-based trainings.

Similar to the “review of ongoing process” method described above, this technique would predetermine  criteria for success; coupling training that has occurred over the period.

The rationale being that successful completion of tasks and assignments; the day-to-day job would indicate effective training. Again, defining this process in detail, including records, is key to success.

Note that claiming effective training through the lack of problems or defects is not the same thing, especially if no one is formally looking at metrics in the first place.

So, That’s five methods for evaluating training effectiveness to consider:

  • Testing
  • An on-going review of process metrics
  • Inquiry
  • A review of external certification
  • At employee reviews

There are certainly more, particularly software-driven solutions as part of an HRIS application (Human Resource Information Systems) – but typically these need a little coaxing to fit the need (and are generally expensive).

I’m quite interested in other methods you might know of.

In Search of Value

The key though, is that your methods of training effectiveness, whatever they are, give something back to the organization.

The whole point is that it is a waste of resource to take up someone’s time with a training that isn’t absorbed and incorporated into the position.

Question Everything

What is the training trying to accomplish? If it is training to a procedure or work instruction – is the document needed in the first place?

Is it actually a training? Sometimes what companies call “training” is really only a communication – there is a difference, even if subtle.  Typically a training teaches, while a communication informs – the distinction is up to the company to decide. It’s important to make that distinction since if it is training, the hoops come up (as I like to say). Training means evaluate training effectiveness; they go hand-in-hand.

If a process must be documented in order to ensure things go smoothly, then it is worth training people to follow that process. To ensure the training is valuable, ensure that the process is doing what it is supposed to be doing.

From the Top Down

The business is there for a reason; a policy is stated and goals and objectives support that policy.

People are hired with the needed competencies. When there is a gap between what they know coming into the organization and what they need to know to meet the goals and objectives – then training is needed.

Processes and documents are defined to realize the policy – these are often the things that must be learned. And when people know what they are doing – it all works according to plan.

It all points back to monitoring the processes, goals and objectives – this is the key to providing training that provides value. Verifying that the training does what it is supposed to do – evaluating training effectiveness – is simply protecting that investment in time and money.

 

Thanks for reading, I hope it helps – but don’t worry, it won’t be on the test.

Annex SL’s Impact

What does Annex SL have to do with an interesting table leg?
Some supports are interesting

While it might have been the intent that Annex SL would be the template for all new standards and revisions to standards – this isn’t exactly the reality.

Annex SL was described in the last post – you may review that HERE if you like.

As a quick summary, “Annex SL” is an ISO document that defines a framework – the basic structure with common terms and requirements – for a generic management system. A standard would be this structure PLUS any additional sector specific requirements.

Understanding this is the key to new ISO releases, such as DIS ISO 9001:2015.

ISO 9001:2015 will not be the first ISO management standard to employ Annex SL – nor will it be the last.

Already released and compliant with Annex SL:

  • ISO/IEC 27001, Information technology: Security techniques, Information security management systems
  • ISO 30301:2011, Information and documentation: Management systems for records
  • ISO 22301:2012, Societal security: Business continuity management systems
  • ISO 21101:2014, Adventure Tourism
  • ISO 20121:2012, Event sustainability management systems
  • ISO 39001, Road-traffic safety (RTS) management systems
  • ISO 55001, Asset management – Currently on CD ballot with publication scheduled for 2014.

What this means is, for one thing, organizations that have one management system in place will have the basic structure needed to adopt another one – or several.

En route via Annex SL:

  • ISO 9001:2015 (General Quality Management) – I’m guessing you knew that one
  • ISO 14001:2015  (Environmental management) – Also expected in 2015.  I have been following the development of this standard and you’ll find related articles on the site
  • ISO 13485 (Medical devices. Quality management systems. Requirements for regulatory purposes) – Released as a Draft International Standard (DIS) on 20 Feb 2014.  The voting period for that closes on 20 July of this year.

Probable Defections to Annex SL:

These standards, for various political and structural issues I can’t pretend to understand, probably will not utilize Annex SL as their template in the coming updates:

  • ISO/TS 16949 – International Automotive Task Force standard. Cars – the big automotive companies dictate what takes place in this rarefied playing field
  • AS9100/10/20 – International Aerospace Quality Group (IAQG) standards  –  Essentially these folks are the Vegans of the management system world . If you don’t know what I mean by that then I am sorry. Actually, I am also sorry either way
  • ISO 45001 (formerly OHAS 18001) – Occupational Health and Safety. A bit of a controversial one to end on because the ultimate format isn’t set in stone. There are those who believe complying with the Annex SL structure will add too much “bloat” to the document.  Apparently bloat is a bad thing.

That’s approximately the current Annex SL situation, with a few less notable omissions.

Personally, I’m hoping the structure holds firm and far as it should serve to make it easier for clients to adopt – and for auditors and certification bodies to consistently understand.

Can it be better? Probably – but it’s a start, and more importantly – a basis for common ground.

Thanks for checking in – and for calibrating yourself.

And now a word from our sponsor:

14001 CD2 Overview

ISO 14001, the standard for Environmental Management Systems, has been undergoing a revision.

As some readers might know, the ISO 14001 Working Group WG5 met in Bogota about three weeks ago. One output of that information exchange was the latest Committee Draft 2 (14001 CD2).

I’ve been reviewing a copy of it against the existing 2004 version and wanted to present an executive; “30,000 foot”, overview. If there is any kind of expressed desire for a deeper analysis I’d be happy to post that as well. In either case, the standard caveat applies when dealing with drafts – things may change before the final publication.

From the top

The first thing you’ll notice is the table of contents is quite a bit larger. Four sections expand and rearrange to ten sections. This reflects the current fashion to comply with what is known as “Annex SL” which serves to incorporate a common text and structure across all ISO management system standards. It is the same for ISO 9001:2015 and the latest ISO 27001 as well.

The top three sections are titled the same in 14001 CD2; Scope, Normative references, Terms and definitions but where 2004 ends at Section 4, Environmental management system requirements, and breaks that into six pieces – 2015 does this:

  1. Context of the organization
  2. Leadership
  3. Planning
  4. Support
  5. Operation
  6. Performance evaluation
  7. Improvement

Become friends with this list, you’ll see the same one in every ISO management system standard.

And now, there is another Annex, “Annex C (informative) Relationship between this International Standard and the PDCA model”

Annex C has a table with each section and subsection in one column, and the corresponding PDCA component in another. For example, under parts of 4, 5 and 6 is listed “PLAN”.

Both versions contain a Foreword of approximately the identical content – you won’t read the new one either.

The Introduction, however, is probably worth your time for an initial read, to give you the philosophical underpinnings of the standard – I believe it is useful when interpreting requirements, because they are not always crystal-clear.

To this end, figure 1 within the Introduction is worthy of reproduction.

14001 PDCA Figure 1

Section Overviews

1. Scope, 2. Normative references and 3. Terms and definitions

Scope has similar content, reworded somewhat, additional focus on applicability to any organization regardless of size, type and nature.

Normative references continues to be empty; a guest that, despite repeated hints, will not leave .

Terms and definitions in 14001 CD2 are of course quite changed and expanded and should certainly warrant an initial scan. Where there were twenty, there are now thirty-three.

4 Context of the organization

Annex A, and this is a good time to point this out, has fairly straightforward guidance on the standard in general, and it is often overlooked. It explains context as a high-level, strategic understanding of the important issues that can affect, either positively or negatively, the way the organization manages its environmental responsibilities.

So, this includes understanding the organization, and the needs and expectations of interested parties. This section is where you’ll find the requirement for determining the scope of the EMS.

5 Leadership

Here is the management commitment part of standard including objectives, strategic planning – essentially supporting the fulfillment of the rest of the standard’s requirements.

The environmental policy is here along with the as familiar roles, responsibilities and authorities.

6 Planning

Planning includes “Actions to address risks and opportunities”; aspects, compliance obligations. Given that, planning to take action based on those considerations comes into play, with a focus on environmental objectives.

7 Support

Resource determination and allocation is part of Support, including personnel; competence. Subsections here are also Awareness and Communication (internal and external).

Document control, including records, resides here.

8 Operation

“The organization shall plan, implement and control the processes needed to meet environmental management system requirements, and to implement the actions [previously] determined.”

Subsections of Operational planning and control, Value chain control (purchasing), Emergency preparedness and response (controlling an emergency).

9 Performance evaluation

“Monitoring, measurement, analysis and evaluation” starts this section out with a list of what shall be measured:

  • key characteristics of its operations that can have a significant environmental impact;
  • the key characteristics necessary to assure compliance obligations are met;
  • organizational risks and opportunities;
  • operational controls as applicable;
  • value chain controls as appropriate; and
  • progress towards the organization’s environmental objectives, using the determined indicators

There is a section for evaluating compliance, separate from Internal audits – and that is covered here as well, unchanged except for the focus on risks and opportunities.

Management review fits into section 9, as you’d expect – but this subsection is quite a bit more “fleshy” and is worth a closer look.

10 Improvement

The word “Preventive” is absent in 14001 CD2, elsewhere folded into the concept of risk and the first subsection becomes “Nonconformity and corrective action”.

Continual improvement (including the word “continual” – interesting because it is absent in the similarly changed draft of ISO 9001) is the final part of the section.

More Changes May Arise

There is your broad overview of the changed, 14001 CD2 of the next version of ISO 14001. I do hope it helps you plan for the future, but please do keep in mind that there could be additional changes which include a reversal of what has already been outlined.

Thanks for your time.

Sal